Document RpryGVmvM321bXR7Bj1GvbgB7

Download
Message From: Sent: To: Subject: Beck, Nancy [/0=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=168ECB5184AC44DE95A913297F353745-BECK, NANCY] 5/23/2017 3:34:39 PM Dimitri.Karakitsos@hklaw.com RE: Meeting follow-up Ok. Thanks. Nancy B. Beck, Ph.D., DABT Deputy Assistant Administrator, OCSPP P: 202-564-1273 ! x.' I I___________________________________ beck.nancy@ e pa.gov From: Dimitri.Karakitsos@hklaw.com [mailto:Dimitri.Karakitsos@hklaw.com] Sent: Tuesday, May 23, 2017 10:44 AM To: Beck, Nancy <Beck.Nancy@epa.gov> Subject: RE: Meeting follow-up Sbelieve they only have one order now (for the three Intermediates), the other could possibly come June 6. It is still being reviewed internally but the technical folks haven't: raised any issues. Dimitrios Karakitsos | H o lla n d & K n ig h t Partner Holland & Knight LLP 800 17th Street N.W., Suite 1100 | Washington, DC 20006 Ex. 6 Fax 202.955.5564 dimitri.karakitsos@hklaw.com | www.hklaw.com From: Beck, Nancy [mailto:Beck.Nancy@epa.gov1 Sent: Tuesday, May 23, 2017 7:16 AM To: Karakitsos, Dimitrios J (WAS - X75132) <Dimitri.Karakitsos@hklaw.com> Subject: Re: Meeting follow-up Dimitri, Thanks. I will look into these. Do you know if Chemours has any concerns with the 2 consent orders? Nancy. Nancy B. Beck, Ph.D., DABT Deputy Assistant Administrator, OCSPP P: 202-564-1273 f Ex. 6 | Beck.Nancy @ e pa.gov On May 22, 2017, at 11:17 PM, " Dimitri.Karakitsos@hklaw.com" <Dimitri.Karakitsos@hklaw.com> wrote: Sierra Club v. E P A 18cv3472 NDCA Tiers 8&9 ED 002061 00050793-00001 Hi Nancy, Here is the information I was provided on the PM Ns. Please let me know when and how would make the most sense to discuss. Thanks Five PMNs for fluoropolymer lubricant products as follows: CBI / Ex. 4 A face-to-face meeting has been scheduled during the last week for June 6th with the Agency to discuss these 5 PMNs. Three PMNs for intermediates in a new manufacturing process for making the new refrigerants: CBI / Ex. 4 Chemours received a revised consent order today from the Agency for these three PMN/SNUNs. (another company filed PMNs on two of the same substances. Their PMN review process finished prior to the completion of ours. EPA published a SNUR which required Chemours to submit the two SNUNs (OurLTM~TMTMjc^^^ So our consent order is to i CBI /Ex . 4$ Dimitrios Karakitsos | H o lla n d & K n ig h t Partner Holland & Knight LLP 800 17th Street N.W., Suite 1100 | Washington, DC 20006 Ex. 6 Fax 202.955.5564 dimitri.karakitsos@hklaw.com | www.hklaw.com Acid to address book j View professional biography From: Beck, Nancy [mailto:Beck.N3ncv@ep3.govl Sent: Wednesday, May 17, 2017 6:41 PM To: Karakitsos, Dimitrios J (WAS - X75132) <Dimitri.Karakitsos@hklaw.com> Subject: RE: Meeting follow-up Hi Dimitri, Thanks for coming in. Yes, a call next week would be helpful as it would be good to know which are the PMNs of concern. Wednesday morning? Thanks, Nancy Sierra Club v. E P A 18cv3472 NDCA Tiers 8&9 ED 002061 00050793-00002 Nancy B. Beck, Ph.D., DABT Deputy Assistant Administrator, OCSPP P: 202-564-1273 i.........Ex. 6 .........i bee.k.naney@epa.gov From: Dimstri.Karakitsos@hklaw.com [mailto:Dimitri.Karakitsos@hklaw.coml Sent: Wednesday, May 17, 2017 11:52 AM To: Beck, Nancy <Beck.iMancy@epa.gov> Subject: Meeting follow-up Nancy, Good seeing you on Monday. Any chance we can arrange a call early next week to provide you with some supplemental information? Thanks and if you would like to discuss my direct line is on this email and my cell is Ex. 6 Thanks, Dimitri Dimitrios Karakitsos | H o lla n d & K n ig h t Partner Holland & Knight LLP 800 17th Street N.W., Suite 1100 | Washington, DC 20006 -- | pax 202.955.5564 dimitri.karakitsos@hklaw.com | www.hklaw.com Add to address seek j View professional biography NOTE: This e-mail is from a law firm, Holland & Knight LLP ("H&K"), and is intended solely for the use of the individual(s) to whom it is addressed. If you believe you received this e-mail in error, please notify the sender immediately, delete the e-mail from your computer and do not copy or disclose it to anyone else. If you are not an existing client of H&K, do not construe anything in this e-mail to make you a client unless it contains a specific statement to that effect and do not disclose anything to H&K in reply that you expect it to hold in confidence. If you properly received this e-mail as a client, co-counsel or retained expert of H&K, you should maintain its contents in confidence in order to preserve the attorney client or work product privilege that may be available to protect confidentiality. Sierra Club v. E P A 18cv3472 NDCA Tiers 8&9 ED 002061 00050793-00003